Munson v. Legal One Law Group

CourtDistrict Court, N.D. California
DecidedApril 18, 2022
Docket3:21-cv-07178
StatusUnknown

This text of Munson v. Legal One Law Group (Munson v. Legal One Law Group) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Munson v. Legal One Law Group, (N.D. Cal. 2022).

Opinion

1 2 3 4 UNITED STATES DISTRICT COURT 5 NORTHERN DISTRICT OF CALIFORNIA 6 BRUCE MUNSON, 7 Case No. 21-cv-07178-JCS Plaintiff, 8 ORDER GRANTING MOTION TO v. DISMISS PLAINTIFF BRUCE 9 MUNSON’S FIRST AMENDED LEGAL ONE LAW GROUP, et al., COMPLAINT PURSUANT TO FED. R. 10 Defendants. CIV. P. 12(B)(3) AND 12(B)(6), OR, IN 11 THE ALTERNATIVE, TO TRANSFER VENUE PURSUANT TO 28 U.S.C. § 12 1404

13 Re: Dkt. No. 24

14 15 I. INTRODUCTION 16 Plaintiff Bruce Munson brings this action against Defendants Legal One Law Group 17 (“Legal One”), Avo Zorabian and Gayane Gevorkian, asserting claims under the Lanham Act for 18 trademark infringement, trademark dilution, false designation of origin, and cybersquatting in 19 connection with his registered trademark LEGAL 1. Presently before the Court is Defendants’ 20 Motion to Dismiss Plaintiff Bruce Munson’s First Amended Complaint Pursuant to Fed. R. Civ. P. 21 12(b)(3) and 12(b)(6), or, in the Alternative, to Transfer Venue Pursuant to 28 U.S.C. §1404 22 (“Motion”). The Court finds the Motion is suitable for determination without oral argument and 23 therefore vacates the Motion hearing set for April 22, 2022 pursuant to Civil Local Rule 7-1(b). 24 The Initial Case Management Conference set for the same date is also vacated. For the reasons set 25 forth below, the Court finds that venue in this District is improper under 28 U.S.C. § 1406 and 26 therefore GRANTS the Motion and dismisses this action without prejudice to refiling in an 27 1 appropriate venue.1 2 II. BACKGROUND 3 A. The First Amended Complaint 4 This action is based on alleged “unauthorized use of the registered trademark LEGAL 1 5 and variations thereof including but not limited to ‘LegalOne’, ‘LegalOneLaw.com’, ‘Legal One 6 Law Group, APC’, and ‘Legal One Law Group’ ” by Defendants. First Amended Complaint 7 (“FAC”) ¶ 1. Munson alleges that “[b]y using a trade name and trademark that wholly 8 incorporates and emphasizes the two decade old registration LEGAL 1” that he owns and 9 administers, “Defendants have caused and are likely to continue to cause confusion that they, 10 Defendants, are the source or sponsor of services under the LEGAL 1 mark.” Id. ¶ 2. He further 11 alleges that Defendants “are likely to cause dilution of the LEGAL 1 trademark.” Id. 12 Munson alleges that he “has been an Indiana licensed attorney who has specialized in 13 providing legal services for a variety of clients both within and outside Indiana, including serving 14 clients who had legal dealings within the State of California, and California-based clients who had 15 matters extending into other states within the United States.” Id. ¶ 7. He alleges that he resides in 16 Muncie, Indiana and that he has been serving clients under the LEGAL 1 mark for twenty years. 17 Id. 18 According to Munson, “Defendant Legal One Law Group has a principal place of business 19 at 500 N. Central Avenue, Ste. 720, Glendale, CA 91203” and “is a partnership offering legal 20 serves under the unregistered mark ‘Legal One Law Group.’ ” Id. ¶ 8. Munson alleges that 21 “Legal One Law Group promotes its services at the website www.legalonelaw.com, in addition to 22 advertising on various social media platforms and through the purchase of adwords through 23 Google Adwords.” Id. He further alleges, on “information and belief,” that “Legal One Law 24 Group targets customers and clients nationwide over its website and through social media and 25 search engines, including customers and clients in California and Indiana.” Id. Munson alleges 26 that Defendant Avo Zorabian and Gayane Gevorkian are partners of Legal One Law Group who 27 1 market its services “online through social media platforms.” Id. ¶¶ 10-11. 2 Munson alleges that the “LEGAL1 mark is a registered mark with the United States 3 Trademark Office (Reg. No. 2496610), for the services PROVISION OF GENERAL LEGAL 4 SERVICES.” Id. ¶ 12 & Ex. A. According to Munson, the LEGAL1 mark was registered on 5 October 9, 2001 and renewed on January 24, 2007 and again on July 15, 2021. Id. He alleges that 6 he has utilized the mark LEGAL1 “for the entire period from October 9, 2001 through to the 7 present-day” and that “LEGAL1 was the subject of marketing throughout the United States, 8 including in Indiana.” Id. ¶ 14. Munson alleges that “[a]s a result of the marketing effort for 9 LEGAL1, [he] has provided legal services to Indiana based clients who required business services 10 relating to California.” Id. He further alleges that in 1997, he “secured the domain name 11 www.legal1.com” and used it to “advertise[ ] online legal services under the LEGAL1 mark.” Id. 12 ¶ 15. 13 Munson alleges that on April 23, 2018, Defendant Avo Zorabian attempted to register 14 “Legal One Law Group” for “Attorney services, namely, representation of clients in litigation, 15 corporate law and business, personal injury, criminal, property damage and lemon law matters” by 16 filing application 87889183 with the U.S. Trademark Office. Id. ¶ 16 & Ex. B. According to 17 Munson, on August 15, 2018, the Trademark Office issued an Office refusal on the basis of 18 likelihood of confusion with Munson’s registration.” Id. ¶ 17 & Ex. C. Munson alleges that 19 Defendant Zorabian did not file a response to the refusal and therefore the mark was abandoned on 20 March 14, 2019. Id. ¶ 18. He further alleges that “Defendants[ ] have consistently provided, and 21 continue to provide, legal services under the mark ‘Legal One Law Group’ [and] have provided 22 legal services under that mark since past August 15, 2018, when Defendant Avo Zorabian was 23 fully aware of the likelihood of confusion between the mark ‘Legal One Legal Group’ and 24 Plaintiff Munson’s mark LEGAL1.” Id. ¶ 19. 25 Munson alleges that Defendants have used “search engine optimization, to ensure their 26 mark ‘Legal One Law Group’ is high ranking upon a search for ‘Legal One’ or the equivalent” 27 and “have held themselves out to be owner of the LEGAL1 registered mark through reviews and 1 linkedin.com, nolo.com, facebook.com, and instagram.com[.]” Id. ¶¶ 22, 24. 2 In the FAC, Munson asserts the following claims: 1) trademark dilution under 15 U.S.C. § 3 1125(c); 2) trademark infringement under 15 U.S.C. § 1114; 3) cybersquatting under 15 U.S.C. § 4 1125(d); 4) false designation of origin under 15 U.S.C. § 1125(A); and 5) unjust enrichment. He 5 seeks injunctive relief, damages and attorneys’ fees and costs. He alleges that venue in the 6 Northern District of California (“District”) is proper pursuant to 28 U.S.C. §1391(b) and (c) 7 because, on information and belief, “Defendants reside in this judicial district, transact, or have 8 transacted business in this judicial district, and may be otherwise found here, and a substantial part 9 of the events, omissions, and injuries, giving rise to Plaintiff's claims occurred in this judicial 10 district.” Id. ¶ 6. 11 B. The Motion 12 In the Motion, Defendants ask the Court to dismiss the case on the basis of improper venue 13 under 28 U.S.C.

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Bluebook (online)
Munson v. Legal One Law Group, Counsel Stack Legal Research, https://law.counselstack.com/opinion/munson-v-legal-one-law-group-cand-2022.